BLD2022-0097+Asbestos ReportKai
HONMENT l KC B ENVIRONMENTAL SERVICES
''"""l'`' PHONE: (360)830-5022 EMAIL: Skyler@kcbes.com
CELL: (360)271-8252 P.O. BOX 829
SEABECK, WA. 98380
CERTIFIED AHERA ASBESTOS INSPECTION
SNOHOMISH COUNTY
February 25th, 2021
315 8th Avenue
Edmonds, WA
Prepared for:
Susan Dunn
315 8th Avenue
Edmonds, WA
TABLE OF CONTENTS
001. Regulatory Compliance ....................................
002. Asbestos Definition .........................................
003. Sampling Protocol ...........................................
004. Survey Methodology/Limitations ..........................
005. Site Specifications ...........................................
006. Summary ......................................................
Attachments which may be included:
*0
Site location maps
* 1
Photos
*2
Notification forms
*3
Lab analysis
*4
Field reports
*5
Chain of Custody forms
*6
Certifications
*7
Print outs
*8
Miscellaneous information
2
001. Regulatory Compliance
This inspection satisfies the current regulation WAC 296-62-07707 that requires
building owners to conduct an inspection before any repair, remodel, or demolition can
be performed where asbestos may be disturbed (Chapter 49-17 RCW) and...
Puget Sound Clean Air Agency (PSCAA) Regulations, Article 4 of the Asbestos
Control Standards Section 4.02 (a) Asbestos Survey Requirements; "It shall be
unlawful for any person to cause or allow a renovation unless the property owner or the
owner's agent determines whether there are suspect asbestos containing materials in the
work area and obtains an asbestos survey of any suspect asbestos containing materials
by an AHERA Building Inspector. An AHERA Building Inspector is not required for
asbestos surveys associated with the renovation of an owner -occupied, single family
residence.
(1) If there are no suspect materials in the work area, this determination shall either be
posted at the work site or communicated in writing to all contractors involved in the
renovation.
(2) It is not required that an AHERA Building Inspector evaluate any material
presumed to be asbestos containing.
(3) Except for renovations of an owner -occupied, single family residence, only an
AHERA Building Inspector may determine that a suspect material does not
contain asbestos.
(4) A summary of the results of the asbestos survey shall either be posted by the
property owner or the owner's agent at the work site or communicated in writing
to all persons who may come into contact with the material.
(b) Requirements for Demolition
It shall be unlawful for any person to cause or allow any demolition unless the
property owner or the owner's agent obtains an asbestos survey by an AHERA
Building
Inspector of the structure to be demolished.
(1) It is not required that an AHERA Building Inspector evaluate any material
presumed to be asbestos containing material...
(2) Only an AHERA Building Inspector may determine that a suspect material does
not contain asbestos.
(3) A summary of the results of the asbestos survey shall either be posted by the
property owner or the owner's agent at the work site or communicated in writing to
all persons who may come into contact with the material.
Section 4.04 (a) Removal of Friable Asbestos Prior to Renovation or Demolition.
Except as provided in Section 4.06c of this Regulation, it shall be unlawful for any
person to cause or allow any demolition or renovation that may disturb friable asbestos -
containing -material or damage a structure so as to preclude access to friable asbestos
containing material for future removal, without first removing all friable asbestos-
containing material in accordance with the requirements in this regulation. Notification
is required for demolition's involving structures with a projected roof area greater than
120 square feet, even if no ACM is present.
Friable, asbestos -containing material need not be removed from a component if the
component can be removed, stored, or transported for reuse without disturbing or
damaging the asbestos.
It shall be unlawful for any person to cause or allow the burning of any facility for
fire training without removing all asbestos -containing materials prior to burning. This
includes both friable and nonfriable ACM.
Section 4.05 Procedures for Asbestos Projects. Training Requirements
It shall be unlawful for any person to cause or allow any work on an asbestos project
unless it is performed by persons trained and certified in accordance with the standards
established by the Washington State Department of Labor and Industries, the federal
Occupational Safety & Health Administration (OSHA), or the United States
Environmental Protection Agency (whichever agency has jurisdiction) and whose
certification is current. "
This certification requirement does not apply to asbestos projects conducted in
an owner -occupied, single family residence performed by the resident owner of the
dwelling.
AHERA (Asbestos Hazard Emergency Response Act) regulation requires this
inspection to include the identification of Friable and Non -Friable ACM in
(1) Surfacing Materials,
(2) Thermal System Insulation, and
(3) Miscellaneous Materials: to delineate homogeneous areas and to sample or
"Presume" all materials located.
Friable ACM is thought to release fibers into the air more readily, however, many
types of Non -Friable ACM can become airborne if disturbed. Additionally, the
condition of the material will be graded and the potential for future damage assessed.
The number of samples required is specified in the AHERA Rule (40 CFR 763.86)
as follows:
Surfacing Materials: (SM)
3 samples per homogeneous area of less than 1000 square feet,
5 samples for greater than 1000 but less than 5000 square feet,
7 samples for greater than 5000 square feet.
Thermal System Insulation: (TSI)
3 samples from each homogeneous area that is not "Assumed" to be asbestos,
1 sample per each patched area, and as determined by the inspector for tees,
elbows or valves.
4
Miscellaneous Materials: (MM) Sample in amounts determined sufficient
by the inspector.
Friable asbestos is material that can be crumbled, pulverized or reduced to
powder by hand pressure. Non -Friable asbestos can become Friable by sanding,
grinding, sawing, or other mechanically induced means.
EPA (Environmental Protection Agency) regulates asbestos above 1%, as
determined using the method specified in Appendix A, Subpart F, 40 CFR (Code of
Federal Regulations) Part 763, Section 1, by Polarized Light Microscopy (PLM).
In the case of <1% asbestos is found in a material, WISHA enforcement staff
must assess that the basic asbestos work practice requirements as given in WAC 296-
62-17712(2), particularly use of wet, non -aggressive methods and prompt clean up.
Vacuums used must be HEPA filtered. Worker training must include asbestos
awareness and hands on training as given in WAC 296-62-07722(5). Respiratory
protection must be based on overall dust levels. A competent person must be assigned
and trained under the requirements of WAC 296-62-07728.
In renovations, owners of a single family residence, non -multiple dwelling unit,
may remove their own asbestos. See Puget Sound Clean Air's website for instructions
and how to dispose.
In demolitions all asbestos is to be removed by an asbestos contractor.
These agencies regulate asbestos in these counties: (Washington State)
• Puget Sound Clean Air Agency (PSCAA) King, Kitsap, Pierce, Snohomish
• Olympic Regional Clean Air Agency (ORCAA) Jefferson, Clallam, Mason, Thurston, Pacific, Grays
Harbor
• Southwest Clean Air Agency (SWCAA) Lewis, Clark, Wahkiakum, Cowlitz, Skamania
• Yakima County Clean Air Authority (YCCAA)Yakima
• Northwest Air Pollution Authority (NAPA)Whatcom, Skagit, Island
• Douglas County Clean Air Commission, Douglas
• Grant County Clean Air Authority, Grant
• Tri Counties Air Pollution Control Authority, Benton, Walla Walla, Franklin
• Spokane County Air Pollution Control Authority (SCAPCA) Spokane
• Washington Department of Ecology, (DOE) Stevens, Ferry, Okanogan, San Juan, Chelan, Kittitas,
Klickitat, Columbia, Garfield, Asotin, Adams, Lincoln, Pend Oreille
A fee must be paid, and the Notice of Intent filed, and be submitted prior to
renovation or demolition of a building.
There is a required waiting period after filing a notification before work can begin.
(Mandatory 10 days for all demolition's) Calendar or working day wait is stipulated by
each regulatory agency's policy.
Further information regarding compliance may be obtained at our office.
It is unlawful for the owner or the owner's agent to remove asbestos in excess of 10
linear feet or 48 square feet per year, per structure, unless the building is an owner -
occupied, single family private residence.
Washington State law requires asbestos that is left in place, be in good repair and
maintained at regular intervals. Maintenance should be documented.
References:
WAC 296-62-077 Asbestos, Tremolite, Anthophlylite & Actinolite
WAC 296-65-001 Asbestos Removal & Encapsulation
NESHAP Asbestos Regulations 40 CFR 61 Sub Part M
PSCAA Regulation III Article 4
AHERA Model Accreditation Plan I AHERA Final Rule 40CFR 763
OSHA 29 CFR Parts 1910
US EPA Guidance for Controlling Friable ACM in Buildings
US EPA ACM in School Buildings, A Guidance Document Part 1 &2
US EPA Asbestos Waste Management Guidance (Office of Solid Waste) US EPA
Reporting & Recordkeeping Requirements for Waste Disposal 11-90
US EPA Asbestos in the Home, A Homeowners Guide 6-88
United States Environmental Protection Agency; The Asbestos Informer
All federally recognized Tribal Lands have the option of reporting to the local air
pollution control agency or to the United States Environmental Protection Agency
when undertaking asbestos projects. There is no fee with the latter.
002. Asbestos Definition
"Asbestos" includes Chrysotile, Amosite, Crocidolite, Tremolite asbestos,
Anthrophylite asbestos, Actinolite asbestos, and any of these minerals that have been
chemically treated and/or altered.
Chrysotile is the most commonly used type of asbestos in North America, known as
"white asbestos", the only mineral in the serpentine group of asbestos minerals. The
word "asbestos" (Greek - not extinguishable) was first recorded in the first century AD,
although the substance was known as early as the second century BC. 75% of the
world's asbestos is mined in Quebec.
Exposure to asbestos fibers can cause asbestosis, various cancers and the deadly
mesothelioma which is an inoperable cancer of the chest and abdominal linings.
Because there is no known safe level of exposure to asbestos, all exposure should be
avoided.
Asbestos was used in the United States in over 3600 different building materials
and while it is possible to suspect that a material contains asbestos, actual determination
can only be made by instrumental analysis.
Sample List of Suspect Asbestos Containing Materials
• Cement Siding/Wallboard/Cement asbestos pipes
• Window putty
• Vinyl Floor Tile/Vinyl Wall Coverings
• Vinyl Sheet Flooring/backing and adhesives
• Vermiculite attic insulation
• Construction Mastics/Joint Compounds/Spackling/Caulking/Putty
• Acoustical and Decorative Plaster
• Textured Paints and Coatings
• Ceiling Tiles and Lay -in Panels/"popcorn" ceiling texture
• Spray -on Insulation/Duct & Boiler Insulation
• Blown -in Insulation/Wiring Insulation
• Fireproofing Materials/Cooling Towers/Base Flashing
• Taping Compounds/Chalkboards/Roofing Shingles
• Packing Materials (Walls/Floors)
• Gaskets/Drywall/Roofing Felt
• Laboratory Hoods/Gloves/Table Tops
• Fire Blankets/Fire Curtains /Fire Doors
• Heating & Electrical Ducts/ Pipe Insulation
003. Sampling Protocol
This survey addresses Friable and Non -friable suspect asbestos containing materials
to meet NESHAP 40 CFR 61 (National Emissions Standards for Hazardous Air
Pollutants) requirements for renovation and/or demolition activities.
When suspect ACM is observed our technicians are trained and proficient in
gathering samples by approved industry standards. All samples are then analyzed by an
independent EPA -approved NVLAP/ NIST/AIHA accredited lab that participates in the
PAT program according to 29 CFR 1910.1001, 0) (8) (ii)(A&B).
The samples are analyzed using PLM with dispersion staining to estimate the
percentage of asbestos composition by volume.
Samples in which less than 1% of asbestos mineral is detected is designated as
"None Detected" (ND) or "No Asbestos Detected" (NAD).
Random samples are gathered of each homogeneous suspect ACM identified during
a visual search. A series of samples are gathered (according to the 3-5-7 AHERA Rule)
and are read at the lab for a positive result. If positive, no other samples are read of that
material; if the sample is negative of asbestos content, the other samples are studied.
All samples gathered must be reported negative for the material to be considered "None
Detected".
The laboratory analysis of all bulk sampling is included in this report and intended
to be an integral part of the inspection data.
Guidelines require laboratories reading asbestos samples to read all materials which
are included in the submitted sample (tile, mastics, vinyl's, adhesives, leveling
compounds, etc.). Because we frequently submit a "layered" sample, we may not
sample mastics/adhesives separately as we feel this would be redundant and cause
confusion in the interpretation for our clients and also result in costlier lab fees.
Therefore, the number of samples gathered will not always result in the same number of
sample results received from the lab.
Not all laboratories are qualified to analyze asbestos. The lab must be NVLAP
certified, participating in the PAT Program of the Federal government.
004. Survev Methodolos!y / Limitations
Site reconnaissance was conducted by a Certified AHERA Building Inspector, in
accordance with 40 CFR Part 763 Appendix C, who is familiar with the probable uses
and locations of suspected Asbestos Containing Building Materials (ACBM). In
addition to a visual walk through, effort is expended to disclose prior uses of the
facility, age, and characteristics of construction, and other information which helps
determine the potential presence of suspected ACBM.
This inspection report is the written opinion of a qualified Certified AHERA
Building Inspector and is based on conditions visible at the time of the site visit. This
report does not constitute a warranty of any kind. Although extensive searches are
conducted, there remains a remote possibility that asbestos in some form may lie
undetected within the structure; under a floor, inside a duct, behind a wall, or buried in
the ground. No degree of demolition was authorized or performed.
Some printed materials may be included in this report strictly for educational
purpose.
Estimated dimensions quoted in this report are approximate estimates for location
awareness of the materials and are not intended to be accurate for bidding. The
Abatement Contractor should check all measurements by site visit.
No portion of this report should be removed from its entirety; copies can be made by
folding back the pages. This report should remain on file for future reference regarding
this structure.
In older structures, it should be noted for personal safety, that most window putty
did contain asbestos, and that in the process of removing the putty to repair a pane,
some individual contamination would most likely occur. Such windows should be
removed with the glass intact and disposed of as a unit.
When flooring is considered suspect of asbestos content, the mastic should always
be treated as suspect as well, and should never be chipped, sanded or scraped until
tested to determine if asbestos is present.
All questions pertaining to this report should be directed to our office for immediate
response.
Field notes are included in this report for their interpretive value. Photo's if taken
are included for identification.
Sample readings resulting in less than one percent (<1 %) will not be recorded as
asbestos because this amount in unregulated, therefore not considered asbestos (ACM).
9
Our services have been executed in accordance with generally accepted
practices within the limitations of scope, schedule, and budget; no other conditions are
expressed or implied.
This report does not expire as long as all repairs and remodeling activities after
the inspection has been performed are conducted using new materials (not inventoried
or used) certified asbestos free; and this action is carefully documented.
Because materials are being imported into the United States from China, which
can contain asbestos, all suspect materials must be tested to ascertain whether or not
asbestos fibers are present. There no longer is a "cut off' date from the year that the
U.S. stopped the manufacturing of ACM for residential use that we can rely on.
This document is protected by the Copyright Act of 1979 under Title 17 of the
United States Code. Under no circumstances can this report be used unless it has been
financially compensated for, nor can it be re -printed without express authorization from
this firm.
10
005. Site Specification:
This Certified AHERA Building Inspection has been authorized by the
homeowner, Susan Dunn at 315 8th Avenue in Edmonds, WA.
The site investigation was performed on February 25, 2021 on this single-family
home. It will undergo an interior remodel. It was built in the 1950's with some
newer remodels.
The suspect materials were collected wet and sealed into 2mil poly lab pouches
and were shipped by FedEx to our preferred asbestos specific NVLAP Laboratory
for analysis using Polarized Light Microscopy.
(8) Sample(s) were collected for analysis, here are the categories:
- Vinyl Tile with Mastic
- Linoleum Tile
- Drywall and Taping Mud
- Chimney Cement
- Furnace Gasket
"Suspect Material" is defined as any building material that has ever been
documented as containing asbestos fibers or materials that closely resemble those
that have.
This report was prepared for the exclusive use of Susan Dunn and her agents or
representatives for specific application to this site. If new information is developed
through excavations, borings or other studies, this inspector should be retained to
re-evaluate the conclusions of this report and provide amendments as needed.
11
006. Summary:
The local Clean Air Agencies require a 10 day wait prior to asbestos abatement
of a commercial or other than owner -occupied structures; and requires the 10 day wait
for all demolitions. A demolition permit must be purchased from PSCAA whether
or not asbestos was identified attached to your structure.
It is required to file your Notice of Intent with Puget Sound Clean Air Agency
online at wwwpscleanair.org and you may phone them for more information at;
206.689.4058. Payment of the Notice of Intent will only be accepted by credit/debit
card.
We suggest you retain this document for as long as you own this property (or
hold contract to work on it) to verify your compliance to the asbestos standards in place
at this time.
If there are any questions, please feel free to contact this inspector:
Skyler Taylor, Certified AHERA Building Inspector #Bvx-NEs-os-is-is-oi
12
KCB ENVIRONMENTAL SERVICES
P.O. Box 829 — Seabeck, WA 98380
360.271.8252
COMPENDIUM OF LOCATED
ASBESTOS -CONTAINING MATERIALS
315 8" Avenue
Edmonds, WA
After due diligence was exercised in the investigation of this single-
family home, these were the asbestos containing materials that were
identified attached to it:
Sample #3. 121 Sq. Ft. of Brown Vinyl Tile in the Utility room, Hallwav and
Bedrooms downstairs.
Laver #2 of Sample #3. Black Mastic in the same areas.
Results continued on the next
13
Sample #4. Approximately 1 Sq. Ft. of Chimney Cement in the Utility room.
Sample #5. ADDrox. 10 Linear Feet of Grav Furnace Gasket on the Furnace.
111 ML lYp�JY{
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Results continued on the next page...
14
Sample #6. Layer #1. Approximately 450 Sq. Ft. of Texture in the Utility Room
Sample #6. Layer #3. Approximately 450 Sq. Ft. of Taping mud in the Same Space
Sample #7. 62.5 Sq. Ft. of Red Vinyl Tile in the "Work Room"
Layer #2. Black Mastic in this area as well.
Results continued on the next
15
Sample #8. 545 Sq. Ft. of Green Vinyl Tile in the Rec Room and Office.
Layer #2. Black Mastic in this area as well.
This concludes the results.
Skyler Taylor, Certified AHERA Building Inspector #BI/R-NES 08-13-15-01
16
FIELD REPORTS - LABORATORY FINDINGS
K C B Environmental Services
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FIELD REPORT Pageof_�
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El- VIRONMEN LP.O. Box 829 INSPECTOR: Skyler Taylor # BI/R-N ES-08-13-15-01 _
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Phone: (360) 830-5022 Mobile: (360) 271-8252
Email: :5kyler@kcbes.com SIGNATURE:r.X,,
DATE: /1-5- / DESCRIPTION: 40D ���r� ���tt�% �r _CONTRACTOR:
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Report for:
Skyler Taylor
KCB Environmental Services
PO Box 829
Seabeck, WA 98380
Regarding
Approved by:
Project: SUSAN DUNN; 315 8TH AVE
EML ID: 2587814
Approved Signatory
David Andrews
Dates of Analysis:
Asbestos PLM: 03-05-2021
HC B
Service SOPs: Asbestos PLM (EPA 40CFR App E to Sub E of Part 763 & EPA METHOD 600/R-93-116, SOP EM-AS-S-1267)
NVLAP Lab Code 600266-0
All samples were received in acceptable condition unless noted in the Report Comments portion in the body of the report. The
results relate only to the samples as received and tested. The results include an inherent uncertainty of measurement associated
with estimating percentages by polarized light microscopy. Measurement uncertainty data for sample results with >1 % asbestos
concentration can be provided when requested.
Eurofins EMLab P&K ("the Company") shall have no liability to the client or the client's customer with respect to decisions or
recommendations made, actions taken or courses of conduct implemented by either the client or the client's customer as a result
of or based upon the Test Results. In no event shall the Company be liable to the client with respect to the Test Results except for
the Company's own willful misconduct or gross negligence nor shall the Company be liable for incidental or consequential
damages or lost profits or revenues to the fullest extent such liability may be disclaimed by law, even if the Company has been
advised of the possibility of such damages, lost profits or lost revenues. In no event shall the Company's liability with respect to the
Test Results exceed the amount paid to the Company by the client therefor.
Eurofins EPK Built Environment Testing, LLC EMLab ID: 2587814, Page 1 of 3
Eurofins EMLab P&K
19515 North Creek Pkwy N, #100, Bothell, WA 98011
(866) 888-6653 Fax (623) 780-7695 www.emlab.com
Client: KCB Environmental Services Date of Sampling: 02-25-2021
C/O: Skyler Taylor Date of Receipt: 03-02-2021
Re: SUSAN DUNK; 315 8TH AVE Date of Report: 03-05-2021
ASBESTOS PLM REPORT
Total Samples Submitted: 8
Total Samples Analyzed: 8
Total Samples with Laver Asbestos Content > 1%: 6
Location: 1 315 8TH AVE, DRYWALL Lab ID-Versiont:12346524-1
Sample Layers
Asbestos Content
White Drywall with Brown Paper
ND
Composite Non -Asbestos Content:
15% Cellulose
Sample Composite Homogeneity:
Good
Location: 2 315 8TH AVE, LINOLEUM TILE
Lab ID -Version$: 12346525-1
Sample Layers
Asbestos Content
Beige Linoleum
ND
Off -White Mastic
ND
Composite Non -Asbestos Content:
12% Synthetic Fibers
Sample Composite Homogeneity:
Moderate
Location: 3 315 8TH AVE, VINYL TILE
Lab ID -Version$: 12346526-1
Sample Layers
Asbestos Content
Beige Floor Tile
7% Chrysotile
Black Mastic
5% Chrysotile
Sample Composite Homogeneity:
Moderate
Location: 4 315 8TH AVE, CHIMNEY CEMENT
Lab ID -Version$: 12346527-1
Sample Layers
Asbestos Content
Gray Cementitious Material
15% Chrysotile
Sample Composite Homogeneity:
Good
The test report shall not be reproduced except in full, without written approval of the laboratory. The report must not be used by the client to
claim product certification, approval, or endorsement by any agency of the federal government. Eurofins EMLab P&K reserves the right to
dispose of all samples after a period of thirty (30) days, according to all state and federal guidelines, unless otherwise specified.
Inhomogeneous samples are separated into homogeneous subsamples and analyzed individually. ND means no fibers were detected. When
detected, the minimum detection and reporting limit is less than 1% unless point counting is performed. Floor tile samples may contain large
amounts of interference material and it is recommended that the sample be analyzed by gravimetric point count analysis to lower the detection
limit and to aid in asbestos identification.
$ A "Version" indicated by -"x" after the Lab ID# with a value greater than 1 indicates a sample with amended data. The revision number is
reflected by the value of "x".
Eurofins EPK Built Environment Testing, LLC EMLab ID: 2587814, Page 2 of 3
Client: KCB Environmental Services
C/O: Skyler Taylor
Re: SUSAN DUNN; 315 8TH AVE
ASBESTOS PLM REPORT
Location: 5 315 8TH AVE, FURNACE GASKET
Eurofins EMLab P&K
19515 North Creek Pkwy N, #100, Bothell, WA 98011
(866) 888-6653 Fax (623) 780-7695 www.emlab.com
Date of Sampling: 02-25-2021
Date of Receipt: 03-02-2021
Date of Report: 03-05-2021
Lab ID-Versionj: 12346528-1
Sample Layers
Asbestos Content
Beige Gasket
65% Chrysotile
Sample Composite Homogeneity:
Good
Location: 6 315 8TH AVE, DRYWALL & MUD
Lab ID -Version$: 12346529-1
Sample Layers
Asbestos Content
Off -White Texture
2% Chrysotile
ND
Cream Tape
Off -White Joint Compound
2% Chrysotile
White Drywall with Brown Paper
ND
Composite Asbestos Fibrous Content:
< 1% Asbestos
Composite Non -Asbestos Content:
15% Cellulose
Sample Composite Homogeneity:
Poor
Comments: Composite asbestos content provided is only for Drywall/Joint compound. Composite content provided for this
analysis has been performed by following the NESHAP guidelines.
Location: 7 315 8TH AVE, VINYL TILE
Lab ID -Version$: 12346530-1
Sample Layers
Asbestos Content
Red Floor Tile
8% Chrysotile
Black Mastic
6% Chrysotile
Sample Composite Homogeneity:
Moderate
Location: 8 315 8TH AVE, VINYL TILE
Lab ID -Version$: 12346531-1
Sample Layers
Asbestos Content
Green Floor Tile
8% Chrysotile
Black Mastic
5% Chrysotile
Sample Composite Homogeneity:
Moderate
The test report shall not be reproduced except in full, without written approval of the laboratory. The report must not be used by the client to
claim product certification, approval, or endorsement by any agency of the federal government. Eurofins EMLab P&K reserves the right to
dispose of all samples after a period of thirty (30) days, according to all state and federal guidelines, unless otherwise specified.
Inhomogeneous samples are separated into homogeneous subsamples and analyzed individually. ND means no fibers were detected. When
detected, the minimum detection and reporting limit is less than 1% unless point counting is performed. Floor tile samples may contain large
amounts of interference material and it is recommended that the sample be analyzed by gravimetric point count analysis to lower the detection
limit and to aid in asbestos identification.
$ A "Version" indicated by -"x" after the Lab ID# with a value greater than 1 indicates a sample with amended data. The revision number is
reflected by the value of "x".
Eurofins EPIC Built Environment Testing, LLC EMLab ID: 2587814, Page 3 of 3
BUILDING I�ASPECTOR
REFRF.SHER
This is to certify that
Skyler Taylor
has attended and satisfactorily completed all requirements to
maintain accreditation as an AHERA Building Inspector in
accordance with the Toxic Substance Control
Act Title (Section 206) and 40 CFR 763.
Accreditation No. B11/R-NES-10,-20-2020.-a3 :
Course Date.- October 20, 2020
Valid through.- October 20, 2021i I r�structof�. Jamie Switras
NOW Environmental Services, Inc.
34004-9 th Avenue South, Suite # 12
Federal Way, Washington 98003
(253) 927-5233